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        <h1>Clarification on Rental Income for Taxation Purposes</h1> <h3>Commissioner Of Income-Tax Versus Sampathammal Chordia</h3> The court clarified that actual rental income should be considered as the annual value for taxation purposes under section 23 of the Income-tax Act, 1961. ... Income From House Property, Annual Letting Value, Deductions Issues:1. Interpretation of section 23 of the Income-tax Act, 1961 regarding annual letting value.2. Deduction of corporation tax from annual value for computing income from property.Interpretation of Section 23 of the Income-tax Act, 1961:The case involved a dispute regarding the annual letting value of a property in Chennai under the provisions of the Tamil Nadu Buildings (Lease and Rent Control) Act, 1960. The assessee received actual rental income of Rs. 1,32,263, which was not disputed by the Revenue. However, the Income-tax Officer assessed the annual value at Rs. 1,44,144 based on municipal records. The Tribunal held that the actual annual rent should be considered as the annual value for taxation purposes, in line with section 23(1)(a) of the Income-tax Act, 1961. The court referred to relevant case law to support this interpretation, emphasizing that the actual rent received should be the basis for determining annual value unless specific conditions apply.Deduction of Corporation Tax:Regarding the deduction of corporation tax from the annual value, the Tribunal ruled in favor of the assessee based on previous court decisions. The court noted that the assessee was entitled to deduct amounts paid for property tax demands, even if they related to earlier years. This decision was supported by legal precedent, ensuring that the assessee could claim deductions for taxes paid in previous years. The court upheld this ruling in favor of the assessee, highlighting the importance of considering past tax payments in computing property income.Conclusion:The court's judgment clarified the interpretation of section 23 of the Income-tax Act, 1961, emphasizing the significance of actual rental income in determining annual value for taxation purposes. Additionally, the decision reaffirmed the right of the assessee to deduct corporation tax amounts from the annual value, even if they pertained to earlier years. The judgment favored the assessee on both issues, providing a comprehensive analysis of the legal framework and relevant case law to support the decisions.

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